USPS-T-l 9 RECElVEll BEFORE THE POSTAL RATE COMMISSION WASHINGTON, D. C. 20268-0001 Jan12 305Pii'00 POSTl*iElTi Cl.,: T:‘:;cr CFFICE oi mc. Si:csp :iit~ POSTAL RATE AND FEE CHANGES, 2000 Docket No. R2000-1 DIRECT TESTIMONY OF JOHN T. PICKETT ON BEHALF OF THE UNITED STATES POSTAL SERVICE Table of Contents LIST OF LIBRARY REFERENCES.. ................................................................................ i AUTOBIOGRAPHICALSKETCH.. .................................................................................. ii I. PURPOSE AND SCOPE OF TESTIMONY ............................................................... 1 II. NETWORK PREMIUM CALCULATIONS ................................................................. 1 7 Ill. NEW CNET PREMIUM DATA SOURCE.. ............................................................. 2 a IV. CALCULATION OF CNET DISTRIBUTION KEY.. .................................................... 9 V. ALASKA AIR ADJUSTMENT FACTOR ................................................................... 3 10 VI. DISTANCE-RELATEDTRANSPORTATIONCOSTS.. ................................................. 4 11 VII. CALCULATIONOF EAGLE DAYNET COSTS ........................................................... 12 3 4 1 List of Library References 2 3 The following library references are associated with my testimony: 4 5 6 7 8 1. USPS LR-I-55 SAS Program Used in Calculation of Air Network Premium Factors 2. USPS LR-I-56 SAS Programs Used in the Calculation of the CNET Premium 9 3. USPS LR-I-57 Calculation of Air Network Premium Factors IO 4. USPS LR-I-58 Calculation of Base Year Distribution 11 Key for Christmas Air Operations 12 5. USPS LR-I-59 Calculation of Alaska Air Adjustment 13 6. USPS LR-I-60 Calculation of Distance-related 14 7. USPS LR-I-61 Calculation of Cost of Eagle Daytime Operations 15 i Transportation Costs 1 2 Autobiographical Sketch 3 My name is John T. Pickett. I am an economist in the Cost Attribution 4 oftice in the Finance department 5 employed 6 the Postal Service since 1984. From 1984 to 1986 and from 1996 to the 7 present, I worked on transportation costing issues. 8 service performance rate levels, rate design econometric 9 analysis and volume forecasting. 10 as an economist, at Postal Service Headquarters. I have been working mostly on rate case and policy matters, by measurement, In the interim, I worked on demand Prior to joining the Postal Service, I was employed as a consulting 11 economist 12 University Professor George Borts. I also taught economics 13 students at Brown University, Salve Regina College and the Naval War College. 14 by Charles River Associates, Prior to my appearance the firm of Kennan and Rohr, and Brown and statistics to today, I testified four times before the Postal Rate 15 Commission. 16 transportation 17 demand analysis and forecasting 18 Postal Service’s proposal to reclassify regular rate second-class 19 No. R97-1, I provided rebuttal testimony on transportation 20 In Docket No. C86-3, I testified on parcel post rate levels and costs. In Docket No. R90-1, I testified on rebuttal on econometric issues. In Docket No. MC95I, I received a B.A. in economics 21 M.A. in economics 22 all the requirements I presented the mail. In Docket costing issues. from Boston University in 1977 and an from Brown University in 1980. While at Brown, I completed for a Ph.D. except the dissertation. ii 1 2 I. 3 4 Purpose and Scope of Testimony The purpose of my testimony transportation costs. is to provide certain calculations There are five issues discussed related to in my testimony: 5 1. Calculation 6 2. New Data Source Used to Calculate the CNET Premium, 7 3. Calculation of CNET Distribution a 4. Calculation of the Alaska Air Adjustment 9 5. Calculation of Distance-related 10 6. Calculation of Eagle Daynet Costs. of Network Premium Costs, 11 The programs and spreadsheets 12 detail in seven Library References Key, Factor, Transportation Costs, and used to make these changes are described USPS-l-55 in through USPS-I-61. 13 14 15 16 II. 17 percentages 18 overnight hub and spoke operation that links major markets through a hub facility 19 in Indianapolis. 20 operation that links major cities~in the West. 21 round. The Christmas network (CNET) is a daytime operation that operates for 22 the two weeks prior to Christmas. 23 Network Premium Calculations My testimony describes the mechanics of calculating network premium for three hub and spoke air networks. The Eagle network is an The Western network is a similar, but much smaller, overnight Both these networks operate year As in past cases, costs for these networks have been divided between a 24 network premium cost and volume-variable non-premium 25 defined as the difference 26 what it would cost to provide this service with passenger 27 library references 28 30 of the Cost Segment 14 B workpapers 29 (USPS-T-l 30 operation. costs. The premium is between the cost of the hub and spoke operation, air transportation. and The calculate a premium factor which is used as an input on page 1). The spreadsheet of Postal Service witness Meehan in LR l-57 calculates the premium costs for each 1 1 As described in the testimony of witness Bradley (USPS-T-22), 2 costs of the Eagle and Western networks are treated as incremental 3 Mail. In the case of CNET, the premium costs are incremental 4 This treatment 5 97-l. See PRC Op., R97-1, Vol. 1. at 221-22. 6 premium to Express to Priority Mail. is consistent with the findings of the Commission in Docket No. In prior years, the linehaul portion of the premium cost of Eagle, WNET, 7 and CNET were calculated a distance from a spoke to the hub and back to a spoke. 9 costs are incurred based on origindestination using aircraft route miles. Route miles measure the 10 make the premium calculation 11 portion of the premium costs is now calculated 12 destination Passenger air linehaul great circle miles (ODGCM). consistent with this cost incurrence, To the linehaul based on ODGCM, that is origin- (spoke to spoke) great circle mileage. 13 An additional modification 14 during the daytime. The premium relates to the cost of the overnight operation. 15 Daytime operations charged to Eagle cost accounts must be removed from the 16 Eagle cost pool before calculating 17 described in Section VII below. ia USPS Library Reference 19 pounds and pound-miles 20 calculations 21 Reference l-57, pages l-2. themselves involves the cost of the use of Eagle planes the overnight premium. This modification is l-56 contains the SAS code used to calculate the for the premium calculations. are contained The premium percentage in an Excel spreadsheet in USPS Library 22 23 24 25 Ill. New CNET Premium Data Source The 1998 Air Contract Support System (ACSS) payment file, called the 26 ASYS file, used to calculate the 1998 CNET premium was discovered 27 missing data. Specifically, 28 two principal CNET contractors 29 Christmas. 30 discontinuity to be according to the ACSS file, CNET mail volumes for Postal operations dropped to zero in the five days prior to experts confirmed the obvious, that this volume had not actually occurred; rather the ACSS file was incorrect. 2 A 1 new source file, the planned versus actual (PVA) tile, was used in the base year. 2 The PVA file is derived from the same raw source data, but contains all volumes 3 flown on the CNET in the base year. 4 calculations 5 can be found in USPS Library Reference l-56. Calculation of CNET Distribution Key PVA source data and the necessary of CNET pounds and pound-miles used in the premium calculations 6 7 a IV. 9 The calculation of the CNET distribution key is the same as in prior years. 10 TRACS data by airclass and mailwde 11 programs contained 12 allow the development 13 PVA tile provides pound-miles 14 weights are applied to the TRACS data to produce a pound-mile based 15 distribution key for CNET. This key is used in the Cost Segment 14 B 16 workpapers of witness Meehan (USPS-T-l 17 costs. are extracted from TRACS expansion in USPS Library References of pound-miles proportions l-49 and l-51. These data by airclass and mailcode. by airclass for the CNET operation. The These 1) to distribute CNET and related air ia 19 20 21 V. Alaska Air Adjustment Factor The Postal Service attributes only a portion of non-preferential Alaska air 22 costs using what has wme to be known as the Alaska air adjustment 23 factor is the ratio of the hypothetical 24 highway divided by the cost incurred for non-preferential 25 remaining Alaska non-preferential 26 Alaska adjustment 27 omnibus case. The Postal Service is making one correction to the input data 28 used in this calculation. 29 highway contract type as an input. In the past, an unweighted average had been 30 used. In this case, witness Bradley (USPS-T-la) the use of the 31 weighted costs of transporting The mail in Alaska by air service. The air costs are treated as institutional. factor uses the same basic methodology The adjustment factor. The as in the last uses the cost per cubic foot-mile by recommends average cost per cubic foot mile. The factor is calculated 3 in an Excel 1 spreadsheet in USPS Library Reference l-59. (The factor is also recalculated 2 Library Reference 3 reference purposes only.) The factor is applied to test year non-preferential 4 Alaska air costs in workpapers l-59 using the unweighted in average cost per cubic foot mile for of witness Kashani (USPS-T-14). 5 6 7 VI. Distance-related Transportation Costs The rate designs for certain zone-rated a products rely on drawing a 9 distinction between distance- and non-distance-related IO calculation of these costs follows the Commssion’s 11 in prior cases (see Docket No. R97-I, 12 Workpaper 13 calculations B, Worksheet transportation accepted methodology USPS witness Alexandrovich, 14.0.7 and PRC Library Reference appear in an Excel spreadsheet costs. The LR-6). used USPS-T-5, These in USPS Library Reference l-60. 14 15 16 17 VII. Calculation of Eagle Daynet Costs The Eagle contract has historically been used to operate an overnight hub ia and spoke network designed to meet Express Mail service commitments. 19 Beginning 20 planes during the daytime. These daytime Eagle “turns” (as they are called by 21 operations 22 transportation, 23 three-day 24 understanding 25 three Eagle accounts (53541, 53543, and 53547). 26 in PQ 2 of FY 1998, the Postal Service began using certain Eagle personnel) were designed to substitute for passenger to better meet the service commitments that the cost of the Eagle turns in FY 1998 was charged to the To avoid attributing the costs of this daytime operation to mail carried and handled in the overnight operation, 28 Daynet turns. 29 placed in the Passenger 31 of so-called two- and mail (i.e., non-local First-Class and Priority Mail). It is my 27 30 air I developed an estimate of the cost of the This estimated cost was removed from the Eagle cost pool and Air cost pool. The Daynet estimate was also removed from the Eagle costs used in the Eagle premium calculation in Library Reference 4 l-57. As can be seen in the 1 spreadsheet, 2 Corrected 3 below the factors used in the transportation 4 an error was made in the calculation premium factors are presented The calculation of the premium factors. in the same spreadsheet, B workpapers. of the Daynet costs is contained 5 5 directly in Library Reference l-61.
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